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NBER WORKING PAPER SERIES
POLICY WATCH: CHALLENGES FOR TERRORISM RISK INSURANCEIN THE UNITED STATES
Howard KunreutherErwann Michel-Kerjan
Working Paper 10870http://www.nber.org/papers/w10870
NATIONAL BUREAU OF ECONOMIC RESEARCH1050 Massachusetts Avenue
Cambridge, MA 02138October 2004
Forthcoming in the Journal of Economic Perspectives. We are grateful to James Ament, Debra Ballen,Jeffrey Brown, Dan Conway, Christophe Courbage, David Cummins, Neil Doherty, William Dove, MartinFeldstein, Rich Franklin, Christian Gollier, Anne Gron, Patricia Grossi, Geoffrey Heal, Carl Hedde, ClaudeHenry, James Hines, Dwight Jaffee, Ken Jenkins, Maurice Kilavuka, Paul Kleindorfer, Patrick Lagadec,James Macdonald, Don Mango, Linda Moeller, David Moss, Frank Nutter, Paul O’Connell, Mike O’Malley,Chandu Patel, Burkhard Pedell, Beverly Porter, Thomas Russell, Todd Sandler, Jack Seaquist, Jason Schupp,Stephen Shore, Kent Smetters, Greg Stern, Craig Tillman, François Vilnet, Michael Waldman, Gordon Wooand especially to Timothy Taylor for discussions and valuable comments on earlier drafts of this paper. Wealso appreciated meaningful discussions on related issues with workshop participants at the National Bureauof Economics Research (NBER) Insurance Group, Lawrence Livermore National Laboratory,Brookings-Wharton Conference on Financial Institutions, Harvard University’s Kennedy School ofGovernment, Wharton Managing and Financing Extreme Events meetings and participants at the WorldEconomic Forum in Davos as well as with members of the U.S. General Accounting Office (now the U.S.Government Accountability Office), U.S. Treasury, American Insurance Association, American ReinsuranceAssociation, Geneva Association for the Study of Insurance Economics, GAREAT, Extremus, and the OECDTask Force on Terrorism Insurance on which we both serve. The authors wish to thank Lockheed Martin,Radiant Trust, the Institut Veolia Environnement and the Wharton Risk Management and Decision ProcessesCenter for financial support of this project. The views expressed herein are those of the author(s) and notnecessarily those of the National Bureau of Economic Research.
©2004 by Howard Kunreuther and Erwan Michel-Kerjan. All rights reserved. Short sections of text, notto exceed two paragraphs, may be quoted without explicit permission provided that full credit, including ©notice, is given to the source.
Policy Watch: Challenges for Terrorism Risk Insurance in the United StatesHoward Kunreuther and Erwan Michel-KerjanNBER Working Paper No. 10870October 2004JEL No. H56, G22, G28
ABSTRACT
This paper examines the role that insurance has played in dealing with terrorism before and after
September 11, 2001, by focusing on the distinctive challenges associated with terrorism as a
catastrophic risk. The Terrorism Risk Insurance Act of 2002 (TRIA) was passed by the U.S.
Congress in November 2002, establishing a national terrorism insurance program that provides up
to $100 billion commercial coverage with a specific but temporary risk-sharing arrangement between
the federal government and insurers. TRIA’s three-year term ends December 31, 2005, so Congress
soon has to determine whether it should be renewed, whether an alternative terrorism insurance
program should be substituted for it, or whether insurance coverage is left solely in the hands of the
private sector. As input into this process, the paper examines several alternatives and scenarios, and
discusses their potential to create a sustainable terrorism insurance program in the Unites States.
Howard KunreutherOperations and Information ManagementThe Wharton SchoolUniversity of PennsylvaniaPhiladelphia, PA 19104-6366and [email protected]
Erwann Michel-KerjanThe Wharton SchoolUniversity of PennsylvaniaPhiladelphia, PA [email protected]
3
Introduction
The terrorist attacks on September 11, 2001 against the United States raise a fundamental
question about the responsibilities of the public and private sectors in reducing the risks of terrorist
attacks and in providing adequate financial protection to victims of catastrophes. As defined by the
White House (2002, p. 2), homeland security is “the concerted effort to prevent attacks, reduce
America’s vulnerability to terrorism, and minimize the damage and recover from attacks that do
occur.”
Although numerous efforts have been undertaken during the last three years to prevent new
terrorist attacks on U.S. soil, the economic impact of another mega attack has to be seriously
considered. More specifically, who should pay for future losses so as to assure business and social
continuity should the terrorists be successful? This paper examines the role that insurance has
played in dealing with terrorism before and after September 11, 2001. It then evaluates alternative
terrorism insurance programs for the future, given that the U.S. Congress must soon decide whether
to renew the Terrorism Risk Insurance Act (TRIA) that was passed in November 2002.
Terrorism Insurance Before and After 9/11
Even after the terrorist attack on the World Trade Center in 1993 and the Oklahoma City
bombing in 1995, insurers in the United States did not view either international or domestic
terrorism as a risk that should be explicitly considered when pricing their commercial insurance
policy, principally because losses from terrorism had historically been small and, to a large degree,
uncorrelated. Thus, prior to September 11, 2001, terrorism coverage in the United States was an
unnamed peril covered in most standard all-risk commercial and homeowners’ policies covering
damage to property and contents.
4
The terrorist attacks of September 11, 2001, killed over 3,000 people from over 90 countries
and inflicted insured losses currently estimated at $32.5 billion that was shared by nearly 150
insurers and reinsurers worldwide. These attacks were the most costly event in the history of
insurance, inflicting insured losses 1.5 times higher that of Hurricane Andrew in 1992, the previous
record-holder. Commercial property, business interruption, workers’ compensation, life, health,
airline liability, and general liability insurance lines each paid out claims in the billions of dollars
(Hartwig, 2004).2
Reinsurers (most of them European) were financially responsible for the bulk of these losses.
These reinsurance payments came in the wake of outlays triggered by a series of catastrophic natural
disasters over the past decade and portfolio losses due to stock market declines. Having their capital
base severely hit, most reinsurers decided to reduce their terrorism coverage drastically or even to
stop covering this risk.
Hence, in the immediate aftermath of September 11, 2001, U.S. insurers found themselves
with significant amounts of terrorism exposure from their existing portfolio with limited possibilities
of obtaining reinsurance to reduce the losses from a future attack. The few that did provide coverage
to their clients charged very high prices. For example, prior to 9/11 the Chicago’s O’Hare airport
carried $750 million of terrorism insurance at an annual premium of $125,000; after the terrorist
attacks, insurers only offered $150 million of coverage at an annual premium of $6.9 million (Jaffee
and Russell, 2003).
2 These payments are lower than the original $40 billion estimate by the insurance industry (Hartwig, 2002). This is primarily because of lowered liability expectations and greater utilization of the federal Victim Compensation Fund that will have paid nearly $5 billion to 9/11 victims and their family (Smetters, 2004). It is worth noting that the fund requires the beneficiaries to relinquish their rights to going to court, thus limiting liability losses that might otherwise have ended up in court and possibly paid by the insurance industry.
5
Insurers warned that another event of comparable magnitude could do irreparable damage to
the industry.3 Furthermore, they contended that the uncertainties surrounding large-scale terrorism
risk were so significant that it was, in fact, an uninsurable risk. In October 2001, the Insurance
Services Office , on behalf of insurance companies, filed a request in every state for permission to
exclude terrorism from all commercial insurance coverage (U.S. General Accounting Office, 2002).
By early 2002, 45 states permitted insurance companies to exclude terrorism from their policies,
except for workers’ compensation insurance policies that cover occupational injuries without regard
to the peril that caused the injury (U.S. Congress Joint Economic Committee, 2002). With that
exception, by September 11, 2002, very few firms had other insurance coverage against a terrorist
attack (Hale, 2002).
This situation led to a call from some private sector groups for federal intervention. For
example, the construction and real estate industries claimed that the lack of available terrorism
coverage delayed or prevented several projects from going forward due to concerns by lenders or
investors (U.S. General Accounting Office, 2002). In response to these concerns the Terrorism Risk
Insurance Act of 2002 (U.S. Congress, 2002), based on risk sharing between the insurance industry
and federal government, was passed by Congress on November 26, 2002 and signed into law by
President Bush. However, the act expires on December 31, 2005, and it is unclear what type of
terrorism insurance program, if any, will emerge in the United States.4
3 For an empirical study of the market reactions to 9/11, see Doherty et al. (2003). 4 Three bills to extend the Terrorism Risk Insurance Act (TRIA) program for an additional two to three years beyond 2005 were introduced during the summer of 2004: the House Democrats' bill (H.R. 4772), House Republican bill (H.R. 4634) and the bipartisan Senate bill (S. 2764). The House Financial Services Committee approved H.R. 4634 in late September. For a discussion of potential economic effects of TRIA’s expiration, see Hubbard and Deal (2004).
6
The Terrorism Risk Insurance Act of 2002: A Temporary Answer
Under the Terrorism Risk Insurance Act of 2002, insurers are obligated to make available an
insurance policy against terrorism to all their clients. The coverage limits and deductibles must be
identical to non-terrorism coverage, but TRIA does not provide any guidance as to what rates should
be charged. The insured can decline the offer. If the U.S. Treasury Secretary certifies an event as an
“act of terrorism” carried out by foreign persons or interests5 and involving losses in excess of $5
million, then losses would be shared between federal government and insurers.
There are two layers associated with TRIA reflecting who is financially responsible for the
losses from a terrorist event. The insurers retain the first layer through a deductible provision,
determined as a percentage of the direct commercial property and casualty earned premiums of each
insurer the preceding year: 10 percent in 2004 and 15 percent in 2005. The deductible level can be
large; for example, AIG’s 2004 deductible has been estimated to be $2.7 billion, others like
Travelers, ACE, Chubb or Berkshire have lower 2004 deductibles: $928 million, $743 million, $600
million and $200 million, respectively (Morgan Stanley, 2004). The federal government and insurers
are jointly responsible for the second layer of insurance industry losses up to $100 billion.
Specifically, the government pays 90 percent of each insurer’s primary property-casualty losses
during a given year above the applicable insurer deductible and the insurer covers the remaining 10
percent. Should the insurance industry’s losses exceed $100 billion during a given year, then the
U.S. Treasury determines how the losses will be divided between insurers and the federal
government.
5 A domestic terrorist event like the Oklahoma City bombings of 1995, had been the most damaging terrorist attack on domestic soil before September 11, 2001 is not covered under TRIA. There were 168 people killed and losses were inflicted mostly to federal property and employees. TRIA does not cover life insurance either. The risks related to a terrorist attack using chemical, biological, radiological and nuclear weapons of mass-destruction are covered under TRIA only if the primary insurer has included these risks in its standard commercial policy.
7
If the insurance industry suffers terrorism losses that require the government to cover part of
the claims payments, then these outlays are partially recouped after the event by the U.S. Treasury
through a mandatory policy surcharge levied against insurers. Insurers, in turn, can impose a
surcharge on all property and casualty insurance policies, whether or not the insured has purchased
terrorism coverage. Should the final payments by the insurance industry in any given year exceed a
certain level ($15 billion for 2005), the federal government would pay for the losses above this
amount without the possibility of recouping such payments.
It is worth noting that the federal government does not receive any premium for providing
this coverage. Reinsurers cannot compete with this implicit zero cost federal terrorism reinsurance
program and their role has been limited to covering the deductible and the 10 percent share of
insurer’s potential liability (15 percent in 2005).
TRIA requires private firms to offer terrorism insurance but also seeks to ease insurers
concerns about suffering large losses from future terrorist events. The intent of the Act was that
insurers would offer terrorism coverage at premiums that would be attractive to firms at risk who
would then decide to purchase it. Although there has been an increase of demand for terrorism
insurance in recent months, there is no guarantee that firms will continue to purchase coverage in the
future. The latest information suggests a majority of firms have not purchased terrorism insurance
early in 2004.6 Should another large-scale terrorist attack occur soon, many firms would be
unprotected and insurers are likely to rethink their role yet again (MacDonald, 2004).
6 Data compiled by Marsh Inc. (2004) from more than 800 businesses and government entities that renewed property insurance policies in the second quarter of 2004 revealed that 46 percent of them had bought terrorism insurance compared to 44 percent in the first quarter of 2004 and 32 percent in the fourth quarter of 2003. The following two factors appear to explain this increase in demand: Recent alerts released by the federal government on possible attacks in the United States have increased firms’ concern with terrorism. Since the overall pricing for commercial property insurance has continued to decrease, firms have freed up funds to purchase terrorism insurance coverage.
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Distinctive Challenges of Terrorism Insurance
In the field of risk management and insurance, terrorism presents a set of very specific
challenges. First, there is the potential for extremely large losses due to changes in the nature of
terrorism over the past decade. Today there are an increasing number of religious-based terrorist
groups, many of whom advocate mass casualties (Hoffman, 1998; Stern, 2003; Sandler and Enders,
2004). 7
Second, insurers have a difficult time pricing terrorism insurance given the uncertainty
associated with the risk. Although terrorism risk models have been developed in the past two years,
they are primarily designed to specify insurer’s potential exposure to losses from a wide range of
scenarios characterizing the attack (Kunreuther, Michel-Kerjan and Porter, in press). The models are
not well-suited in estimating the likelihood of any of these scenarios occurring. In contrast to other
catastrophic risks such as natural hazards, where large historical databases and scientific studies on
the risks are in the public domain, data on terrorist groups’ activities and current threats are normally
kept secret by federal agencies for national security reasons. For example, the public still has no idea
today who manufactured and disseminated anthrax in U.S. mailings during autumn 2001. Without
this information, it is difficult for modelers to make projections as to the capability and opportunities
of terrorists to undertake similar attacks or disruptive actions in the future.
Third, the risk of future terrorist attacks depends on the terrorists’ will to attack and their
chosen modes. Their strategies may be partially determined by the protective measures undertaken
by those at risk and on actions taken by the government to enhance general security. Moreover,
foreign policy decisions made by a government can deeply affect the desire of terrorist groups to
7 Large-scale terrorist attacks against civilians in Madrid, Spain on March 11, 2004, have been credited with altering the outcome of the Spanish election that occurred three days later, and hence raises the question as to the potential impact of terrorism as a global political weapon.
9
attack a certain country or its interests abroad (Lapan and Sandler, 1988; Lee, 1988; Pillar, 2001)
This point was underscored by the 9/11 Commission Report on terrorist attacks (National
Commission, 2004). In this sense, terrorism risk depends on actions by both the private and public
sectors and is continuously evolving. This makes the risk of future terrorist events extremely
difficult to estimate.
A fourth challenge arises in pricing terrorism risk insurance due to the existence of
interdependencies. In contrast to other insurance, where premium reductions are given to
policyholders who undertake preventive measures (like making buildings safer against fire), an
insurer on its own may not be in a position to offer this type of economic incentive for terrorism
coverage because of the interconnectedness between firms with respect to this risk. The vulnerability
of one organization, critical economic sector or country depends not only on its own choice of
security investments, but also on the actions of other agents. Failures of a weak link in an
interdependent system can have devastating impacts on all parts of the system.
Interdependencies do not require proximity, so the antecedents to catastrophes can be quite
distinct and distant from the actual disaster. In the case of the 9/11 attacks, security failures at
Boston's Logan airport led to crashes at the World Trade Center (WTC), the Pentagon, and in rural
Pennsylvania. The same was true of the crash of PanAm103 over Lockerbie, Scotland in December
1988. The disaster was caused by a bomb in a suitcase loaded at Goso Airport, Malta on Malta
Airlines where security measures were lax. The suitcase was then transferred to a Pan Am feeder in
Frankfort, and then onto Pan Am 103 in London set to explode only if the plane flew over 28,000
feet, a height normally first attained on this route over the Atlantic Ocean (Lockerbie, 2001).
Such interdependencies may lead to a situation where all or many firms decide not to invest
in protection because they know that the failure of others to take similar actions can affect them even
10
if they exert care themselves. In theory, a social insurance program can institute regulations and
standards to reduce these negative externalities to achieve a socially optimal level of investment in
protection, but it may not be so easy to implement these measures. (Kunreuther and Heal, 2003; Heal
and Kunreuther, in press).
Crisis management in the aftermath of an attack also can have huge impacts and ripple
effects. Actually, the 9/11 events, as well as the anthrax attacks, demonstrated a new kind of
vulnerability: terrorists can use the capacity of a country’s critical infrastructure to have a large-scale
impact on the nation by turning the diffusion capacity of our own networks against ourselves. Each
element of the network -- every aircraft, every piece of mail -- can thus become a potential weapon
endangering the entire network (Michel-Kerjan, 2003a). Another limitation of terrorism insurance is
that it normally does not cover losses unless the insured is the direct target of an attack (Godard et
al., 2002). For example, following the terrorist attacks of 9/11 the Federal Aviation Administration
(FAA) banned takeoffs of all civilian aircraft regardless of destination. In March 2004, the city of
Chicago was denied insurance compensation for business interruption losses that resulted from the
FAA’s decision. The specific clause of the insurance contract for business interruption specified
covering only “direct result of a peril not excluded,” thus imposing a territorial limitation that
excludes interdependent effects due to the response to an attack (U.S. District Court, 2004).
Developing a Sustainable Terrorism Insurance Program
Congress requires that the U.S. Department of the Treasury assess the effectiveness of TRIA
no later than June 30, 2005, to determine whether it should be renewed, whether an alternative
terrorism insurance program should be substituted for it, or whether insurance coverage should be
11
left in the hands of the private sector. As input into this process, we now consider several alternative
terrorism insurance programs and scenarios.
A Market Approach
In this scenario, the Terrorism Risk Insurance Act of 2002 would expire and a private market
for terrorism insurance would be allowed to operate without any federal backstop or mandatory offer
requirement. Some economists contend that the private market has the capacity to develop a market
for covering terrorism risks and that government intervention limits the development of private
solutions (Gron and Sykes, 2002; Jaffee and Russell, 2003). Others argue that certain changes in
tax, accounting and regulation would make it less costly for insurers to hold surplus capital and
allow prices to adjust freely. Private insurers would then be more likely to cover the terrorism risk
adequately (Smetters, 2004). To date no serious legislative efforts have been undertaken to initiate
such changes.
Should the federal government withdraw its financial support, most private insurers are likely
to offer terrorism insurance only if they can protect themselves against catastrophic losses by
purchasing reinsurance or through securitization of risks via innovative mechanisms like catastrophe
bonds. A catastrophe bond transfers the risk of a large loss from the insurance/reinsurance industry
to the financial markets. It has the following structure: under explicit conditions specified at its
issuance the bond pays a higher than normal interest rate, but the interest and/or principal payments
will be lost if a catastrophe occurs.
Neither of these risk transfer mechanisms seems especially promising. Even with TRIA in
place, reinsurers have only cautiously returned to terrorism insurance, but most insurers have not
purchased reinsurance probably due to the relatively high premiums for a limited amount of
available coverage (U.S. GAO, 2004). Catastrophe bonds have been used since 1996 to cover the
12
risk of large losses from some natural disasters, but a sustainable market for catastrophe bonds to
cover losses from terrorist attacks has not emerged since 9/11. It is not clear whether the situation
will change in the near future, at least in the United States (Kunreuther and Michel-Kerjan,
forthcoming; U.S. GAO, 2003).8
In fact, to date there has been little movement and coordination between insurers and
reinsurers toward developing a private-industry program that could provide sufficient capacity
without government participation (U.S. GAO, 2004). If nothing is done after TRIA expires, insurers
will probably significantly increase the price of coverage, since free federal reinsurance will no
longer be available. Many insurers may even decide not to offer this coverage to their clients, as they
would no longer be required to do so by law. On the demand side, many firms are likely to conclude,
as memories of 9/11 fade, that such insurance is too costly and not strictly necessary. The risk of
future losses will be viewed as below their threshold level of concern. Moreover, if firms know that
other firms have also not purchased coverage, they are likely to believe that the federal government
will assist them following a terrorist attack. For these reasons, few businesses are likely to be
financially protected against the risks of terrorism.
This outcome may be considered efficient until after the next terrorist attack, when providing
adequate financial protection to victims of catastrophes will again take center stage. Under public
pressure, it could be politically difficult for the government not to compensate the uninsured for
damage they sustain. Due to the uncertainty of the risk and the fear of future catastrophic losses,
8 The first terrorism-related catastrophe bond was issued in Europe in August 2003. The world governing organization of association football (soccer), the FIFA, which organizes the 2006 World Cup in Germany, developed a bond to protect its investment should either a natural disaster or a terrorist attack occur that would result in the cancellation of the final World Cup game without the possibility of it being re-scheduled to 2007. The second terrorist-related bond is a securitization of catastrophe mortality risk undertaken in 2003 by Swiss Re, the world’s largest life reinsurer. (Woo, 2004).
13
many insurers would likely withdraw temporarily from the market as they did right after 9/11. Under
such a scenario, new legislation is likely to impose legal requirements for terrorism insurance.
This cycle is common in the aftermath of a catastrophic natural disaster. Following Hurricane
Andrew in 1992 that inflicted $20 billion of insured losses (measured in 2002 dollars), insurers were
prepared to cancel windstorm coverage in hurricane-prone areas of Florida. The state legislature
passed a law the next year that individual insurers could not cancel more than 10 percent of their
homeowners’ policies in any county in any one year and that they could not cancel more than 5
percent of their property owners’ policies statewide. At the same time, the Florida Hurricane
Catastrophe Fund was created to relieve pressure on insurers should there be a catastrophic loss from
a future disaster (Lecomte and Gahagan, 1998). In California, insurers refused to renew
homeowners’ earthquake policies after the 1994 Northridge earthquake that caused $17 billion of
insured losses (in 2002 dollars). This led to the formation in 1996 of a state-run earthquake insurance
company, the California Earthquake Authority, with funds for its operation provided by insurers and
reinsurers (Roth, 1998).
Mutual Insurance Pools
Under this arrangement insurers would be allowed to form an insurance pool to deal with
specific lines of coverage. In effect, a group of companies provides reinsurance to each other. This
solution has the advantage of spreading the risk over a large number of insurers who join these
pools, but it is unclear whether this alternative would provide adequate coverage against mega-
terrorism. A group of 14 U.S. workers’ compensation insurers that accounts for roughly 40 percent
of the market assessed the feasibility of a workers’ compensation terrorism reinsurance pool, since
terrorism protection cannot be excluded from workers’ compensation coverage (Towers Perrin,
2004). The feasibility study concluded that while the pool could create some additional capacity for
14
each of its members, it would not be enough to matter in the case of a large-scale terrorism attack.
The report stated that extreme terrorist attacks could inflict workers’ compensation losses of $90
billion, three times the capital backing of the private industry’s capacity for covering this line of
business. In addition, the report concluded that it would be difficult to reach an agreement on the
rates that should be charged based on terrorism exposure of pool participants.
There are challenges associated with the creation and operation of a pool arrangement.
Should it hold funds before a terrorist attack, or should it be an arrangement to supply such funds
after an attack? Should participation in the pool be voluntary or mandatory? To what extent could
the pool diversify risk and create additional capacity for each of its members? What rating scale
should be charged by the pool to each of its members, and how could one reach a consensus by those
considering joining? What would be the relationship between premiums charged by primary insurers
to policyholders and those charged by the pool to cover each member insurer?
There are data available to address these questions. For example, potential losses associated
with a large range of scenarios of attacks are better understood today. Terrorism risk models
developed since September 11 could be used to establish a national scale of rates charged by the
pool based on terrorism exposure (Kunreuther, Michel-Kerjan and Porter, in press). There are also
lessons to be learned as to how rates charged by pools established in other countries have been
defined. It is also worth understanding why specific programs abroad were created or modified after
9/11 and how they work in practice (Michel-Kerjan, 2003b; Partner Re, 2004). For example, France,
Germany and the United Kingdom, along with other European countries and Australia, have all
developed insurance programs based on a pool of insurance/reinsurance with a back-up by the
government. Each government, in collaboration with representatives of the insurance industry, sets
up national scale of reinsurance rates charged by the pool that depend on location of the risk (Pool
15
Re in the United Kingdom) or on total insured value wherever the risk is located (Gareat in France,
Extremus in the Germany) (Michel-Kerjan and Pedell, forthcoming).
If a pool arrangement is to emerge in the United States as part of an overall package for
providing terrorism insurance, it seems likely that national associations of insurers and reinsurers, in
partnership with the U.S. Treasury, could play a key role in its implementation and in undertaking
systematic analyses as to how well the system is actually working.
Layers of Insurance The challenge in providing terrorism insurance is to spread the risks appropriately between
the insured parties, the insurance industry, broader capital markets, and the government. Here we
sketch a proposal to provide terrorism coverage through a multi-layer system.
Those purchasing terrorism insurance would be responsible for the initial level of losses
through a deductible on the policy. It might be possible to have an arrangement in which the size of
the deductible and the premium were based to some extent on the nature of loss reduction measures
and response preparedness in which the insured would have invested.
For losses above the deductible, insurers and reinsurers would cover a second tier of losses
up to a specific threshold for total losses. One option could be the creation of a pool arrangement
similar to current programs in European countries. Since a pool arrangement brings insurers
together, it might encourage them to link coverage with risk mitigation/response preparedness
measures so as to deal explicitly with the negative externalities caused by the interdependencies
associated with terrorism risk discussed above. For example, all insurers in the pool may want to
require specific risk reduction measures as a condition for coverage. They may also want to
negotiate a specific arrangement with the public sector for reimbursement of business interruption
16
losses resulting from federal responses to an attack, such as shutting down the airlines, the postal
system or other critical infrastructure.
There could be a pre-existing arrangement for the pool to obtain federal loans at low rates,
should the reserves of the pool be insufficient during its first years of operation to cover insurance
losses from a major attack. If the pool’s financial commitment is well-defined and limited to a
specified amount of coverage, a consortium of international insurers and reinsurers could cover a
specific range of losses above the pool’s liability, as has been done by Swiss Re in France or
Berkshire Hathaway in Germany (Michel-Kerjan and Pedell, forthcoming). If reinsurers are willing
to provide substantial amounts of coverage, then investors might want to provide capital for issuing
terrorism catastrophe bonds.
State and federal reinsurance could cover losses for extreme events that exceeded the layers
of private coverage. The public sector has the capacity to diversify the risks over the entire
population and to spread past losses to future generations of taxpayers, a form of cross-time
diversification that the private market cannot achieve because of the incompleteness of
intergenerational private markets and legal limitations for insurers to accumulate financial reserves
(Gollier, 2002; Smetters, 2004). Such government reinsurance protection could be provided with its
charging insurance companies a premium based on how much coverage they would require to
protect themselves against catastrophic losses from a terrorist attack. By tying the reinsurance
premium to the amount of coverage, the government could provide an additional economic incentive
for insurers to require all their policyholders to invest in specific protective measures.
Required Insurance
If terrorism insurance is voluntary, it seems likely that the combination of reluctant insurers
and reluctant buyers will result in limited coverage. Banks could require terrorism insurance
17
coverage as a condition for loans and mortgages to protect their own financial interests, as they do
for fire coverage today. A broad move in this direction currently does not exist, although as pointed
out above, pressure for TRIA was stimulated by a delay in projects due to the requirements by
financial institutions to be covered against losses due to terrorism. (U.S. GAO, 2003). An alternative
would be for government to require all firms to purchase terrorism insurance.
Mandatory coverage for terrorism risks would address many difficult problems. Since all
firms would be financially protected, it would reduce the demand for government aid that is sure to
arise after an attack by those who failed to purchase insurance. The recovery process would be
facilitated through insurance claims dispersed rapidly to those suffering losses. By expanding the
market for terrorism coverage, the insurance industry could diversify its risks across structures,
industries and geographical areas, and stabilize premium incomes.
To date, the question as to whether coverage should be required has not been explicitly part
of the debate regarding the future of terrorism insurance in the United States. It was discussed 50
years ago as part of a dialog on the creation of war damage insurance program in the aftermath of
World War II (Hirshleifer, 1953). That question may be given serious consideration if other terrorist
attacks, even small-sized ones, occur on U.S. soil. Indeed, the more an industrialized country has
suffered from terrorism, the more likely such coverage has been made mandatory, as in France and
Spain. Obviously, it is much easier to defend a voluntary private market approach for providing
terrorism insurance when no losses have been incurred.
Conclusion
Insurance is a way of spreading risk and a way of encouraging investments in protective
measures to reduce the likelihood and potential losses from a future untoward event. It also
18
contributes to the social and economic continuity of the country should a large-scale terrorist attack
occur. In the aftermath of September 11, 2001, the insured costs associated with the terrorist attacks
were spread across the U.S. and European economies. There were debates here and abroad on the
role and responsibilities of the federal government and the private sector in providing adequate
protection against terrorism. In the United States, this led to the passage of the Terrorism Risk
Insurance Act of 2002 (TRIA).
Broadly understood, how we approach the issue of terrorism risk insurance is an important
tile within the mosaic of our national security. Today the development of a public-private
partnership could facilitate the creation of a large and sustainable insurance market for terrorism
risk. The U.S. government could partner more systematically with the private sector, not only in
providing some degree of government reinsurance, but also in facilitating private sector insurance
arrangements. Such an involvement of the public sector would also facilitate the linkage of terrorism
insurance with private expenditures to better prepare the nation by reducing interdependent risks of
terrorism and hence the direct and indirect consequences of an attack.
We believe, however, that there are better ways to deal with these financial issues than
through TRIA. If a two year extension of TRIA is approved, Congress could explicitly request a
study involving the affected stakeholders for developing such a sustainable terrorism insurance
program in the United States. We also are concerned that if nothing coherent is done should TRIA
expire, another terrorist mega-attack could have a much greater financial and social impacts than
what the nation experienced after 9/11.
REFERENCES
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